Title: General PSO Update
1General PSO Update
- AHRQ Annual Conference 2008
- Amy Helwig, MD, MS
- William B Munier, MD, MBA
- Larry Patton
- 8 September 2008
2Presentation Organization
- Moderator Amy Helwig
- PSO Status Bill Munier
- PSO Operations Larry Patton
2
3Overview of PSO Sessions
- Sunday
- Common Formats Workshop
- Monday
- Confidentiality, PSWP, the PSOs
- General PSO Update
- PSO Status
- PSO Operations
- Tuesday
- 8 am Common Format Mini I Brookside A B
- 10 am Common Fmt Mini II Middlebrook
- 1 pm Common Fmt Mini III Brookside A B
4Presentation Organization
- Moderator Amy Helwig
- PSO Status Bill Munier
- PSO Operations Larry Patton
4
5Medical Errors in History
- In my opinion, physicians kill as many people
as we generals. - Napoleon Bonaparte
6Progress?
- The only two wins we are sure of are
- Removal of concentrated KCl from the floors
- Introduction of infusion devices to eliminate
free-flow IVs in hospitals. - Dennis OLeary, CEO, Joint
- Commission June 1, 2007
7The Patient Safety and Quality Improvement Act of
2005
- Encourages formation of PSOs to improve the
quality safety of health care - AHRQ will administer rules for listing qualified
PSOs - HHS Office for Civil Rights will be responsible
for enforcing confidentiality
8- Rather than a patchwork of state-by-state
protections, there will now be national uniform
protections that is, confidentiality privilege
for clinicians entities performing patient
safety activities
9Proposed Patient Safety Regulation
- PSOs will provide feedback to clinicians health
care organizations on improving safety - The Act does not relieve clinicians or health
care organizations from meeting reporting
requirements under Federal, state, or local laws - The proposed rule (NPRM) was published
- in the February 12th Federal Register
- comment period ended April 14th
- 150 comments received many very
- detailed
10Regulations Process
HHS Completes Draft Regulations
OMB Reviews
NPRM Published
Comments Accepted HHS Revises
OMB Review (of revisions)
Final Rule Published
11Patient Safety Organizations (PSOs)
12Who Can be a PSO?
- Eligible organizations
- Any public or private entity / component
- Any for-profit or not-for-profit / component
- Ineligible organizations
- Statute prohibits health insurance issuer or
component of health insurance issuer - NPRM proposes prohibiting any public or private
entity that regulates providers - e.g., The Joint Commission
13Potential PSO Sponsors
- Hospital associations
- Hospital chains
- Medical societies
- Specialty societies
- Group practices
- Newly-created organizations
- Others
14PSO Activities
- Collect, analyze patient safety (PS) data
- Assist providers to improve quality safety
- Develop disseminate PS information
- Encourage culture of safety minimize patient
risk - Provide feedback to participants
- Maintain confidentiality security of data
15Network of Patient Safety Databases (NPSD)
16NPSD
- Provides benchmarks baselines for measurement
- Disseminates results, best practices
- Conducts analyses for the National Healthcare
Quality Reports - Develops a web-based evidence-based management
resource to support research - Provides technical assistance as needed
17Common Formats
- PSOs will collect, aggregate, analyze
information on quality safety of care - Statute authorizes collection of this information
in a standardized manner - Common Formats are now available
- Allow aggregation of comparable data at local,
PSO, national level - Facilitate the exchange of information
- Underlie the ability to compare learn
18- Common Formats can provide a common language for
patient safety reporting across the nation
19Common FormatsDevelopment Cycle
- Formats will not be subject to
- Federal regulatory processes
- NQF formal consensus process
- Formats will
- Be updated annually as guidance
- Have tight version control
- Formats are
- Currently limited to the hospital setting
- Planned for additional settings
20Presentation Organization
- Moderator Amy Helwig
- PSO Status Bill Munier
- PSO Operations Larry Patton
20
21PSOs The Basics
- Providers are NOT required to work with PSOs
- Providers are NOT required to enter contracts
with PSOs to obtain protections (but note HIPAA
Privacy Rule requires business associate
agreement if provider is a covered entity and
shares PHI with a PSO) - While AHRQ will list PSOs for the Secretary, PSOs
will not receive funding from AHRQ AHRQ will
provide technical assistance - AHRQs regulatory authority only extends to PSOs
AHRQ will not regulate providers that work with
PSOs
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22PSOs AHRQ Approach
- Streamlined process of simple attestation spot
checks to ensure compliance with requirements and
entities are subject to penalties for false
statements - Expect marketplace will assess worth of a PSO
Proposed rule emphasizes transparency /
disclosure to enable providers to make those
decisions - Proposed rule emphasizes technical assistance and
a non-adversarial approach whenever possible to
promoting compliance by PSOs with the criteria
they must meet but if a PSO fails to correct
deficiencies, the NPRM gives AHRQ the authority
to take action
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23Subpart BPSO Portion of the Rule
- 3.102 - Process and Requirements for Initial
and Continued Listing - 3.104 - Secretarial Actions
- 3.106 - Security Requirements
- 3.108 - Correction of Deficiencies, Revocation,
and Voluntary Relinquishment - 3.110 - Assessment of PSO Compliance
- 3.112 - Submissions and Forms
24PSOs Listing Requirements
- 15 Statutory Requirements
- 8 Patient Safety Activities (PSAs)
- 7 Criteria
- Initial listing policies procedures in place
to perform 8 PSAs and will meet 7 criteria upon
listing - Seeking continued listing are performing/will
continue to perform all 8 PSAs and complying
with/will continue to comply with 7 criteria - 18 Statutory Requirements for Component PSOs
- 3 additional requirements
25PSOs Remaining a PSO
- Listing is for 3-year renewable periods
- BUT statute includes a requirement that every 24
months a PSO must demonstrate that it has bona
fide contracts with more than 1 provider - Proposed rule would require 2 contracts to meet
that test
26Confidentiality
- The statute provides federal confidentiality and
privilege protections to patient safety work
product (PSWP) and specifies when disclosures are
permitted - Confidentiality and privilege protections
continue after disclosure, with limited
exceptions - PSWP may contain protected health information
(PHI) requiring covered providers to also comply
with the HIPAA Privacy Rule requirements
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27Patient Safety Work Product
- PSWP is any data
- Developed by a provider and reported to a PSO
- Developed by a PSO for the conduct of patient
safety activities, or - That identifies or constitutes deliberations of
or the fact of reporting pursuant to a patient
safety evaluation system - Original provider records (e.g., medical,
billing) are not PSWP - Non-identifiable PSWP is not confidential or
privileged
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28Confidentiality Protections Implications for
Providers
- The Patient Safety Acts confidentiality
protections have the potential to significantly
expand provider-based patient safety initiatives - The proposed rule does NOT impose specific
requirements on providers within the framework
of rule, providers have great flexibility on how
to operate and develop systems to meet their
needs - But there are a number of issues that providers
need to consider
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29Confidentiality Implications for Providers
- External Reporting Statute does not relieve a
provider of obligations under other laws or
regulations that require external reporting of
information those requirements must be met with
information that is NOT protected (not PSWP) - Internal Use of PSWP within the legal entity of a
provider is NOT a disclosure but consider - Any holder of PSWP can make disclosures
- Intersection with credentialing or disciplinary
actions - If provider is covered entity, disclosures must
meet HIPAA and Patient Safety Act requirements
30Your questions?